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HomeMy WebLinkAbout1999-02-22 Attorney Flynn Ltr to Attorney McEllistremFROM (M N) 2. 22' 99 15:47, S'T- 15:46--NO. 3760057230 F 2 KNUTSON, FLYNN, DEANS & OLSEN 11-E-!: -)`j \L C�--NTRE FOINTE DRIVE. SUITE 10 N I E N P PTA H E I (_1 H T'5 MINNL�;JTA 551 - T'F FAX (65 1 r Feb]1131- 22. 1999 Mr. Thomas E. McEllistrem Collins, Buckle Sauntr Kr Hau P.L.L.P. West 1100 First National Batik Buildincy 331.1. Minnesota Street St. Paul, NLN, 55101-1379 Re: Stillwater Hlcy h School Ropes Course Dear Mr. McElfistrern: COPY we received in toda mail y our letter of Februar 17, 1999. The letter refers to y our intent to seek a peremptor writ of niandai-nus from the Washin Count District Court. You are advised that the School District's position is as follows- 'rhe District does not believe that a peremptor writ is appropriate under the facts and law surroundin the Stillwater ropes course issue. We are full confident that an such writ will be denied b the court if the court is full advised of all the facts and circumstances, 2. The School District, as well as the Cit is entitled to receive an and all movin papers, affidavits and an other documents to be filed with the court in advance of an hearin to ensure that the due process ri of interested parties are protected and that ade tirne. is provided for our response, Once a the School District fully intends to vigorously oppose an attempt to obtain j udicial relief contrar to the interest Of the School District. The School District's interest cannot be protected without timel service of papers in advance of an hearin to permit the School District to prepw-e its defenses in an proceedin Ver trul y ours, P atric Pat', Fl e / - PJF:df ( I I AN I -• i I % )",,t - 1111rl 11 kiV1411, TIM: I I H\ R PVt-\1 IFK OV-1N J- 11 1 0- K I- k VIA F,4CSLVJ11,E ANT) U.S. MAIL cc: Mark Vierlin Dan Parker